TP Minds Asia 2024, held from October 2-3 at the Swissôtel The Stamford in Singapore, is a premier conference for transfer pricing professionals. It features discussions on BEPS 2.0, financial transactions, risk management, and recent audit trends, with insights from senior tax specialists, policymakers, and advisors. Attendees can network with leaders from over 20 industries, gaining practical strategies and updates on global and local tax regulations.
Transfer Pricing Solutions is proud to be an Associate Partner sponsor of TP Minds Asia 2024. Our leadership team will engage with global experts to discuss the latest in transfer pricing developments and strategies. Join us to explore innovative solutions and network with industry leaders at this essential event for transfer pricing professionals in Asia.
We are excited to meet all delegates at TP Minds Asia 2024! Visit our stand to connect with our team and discuss the latest trends in transfer pricing. Learn about our tailored solutions and how we can help you navigate the evolving tax landscape.
Visit our stand to connect with our team and discuss the latest trends in transfer pricing.
| The Inland Revenue Authority of Singapore (IRAS) released the 9th Edition of the Singapore Transfer Pricing Guidelines (TPG) on 4 June 2026. The update introduces targeted clarification on the treatment of share‑based compensation (SBC) in the context of intercompany services arrangements remunerated on a cost‑plus basis. |
Adriana Calderon, Managing Partner - Asia & Malaysia at Transfer Pricing Solutions, shares insights from the IFA APAC Conference in Tokyo, highlighting key trends in transfer pricing across Asia. She explores regional differences in approach, increasing regulatory complexity, and rising audit activity, while reflecting on the importance of global networks in fostering collaboration and shaping the future of international tax.
Malaysia’s transfer pricing framework continues to evolve, with the Inland Revenue Board of Malaysia applying increasing scrutiny to how multinational groups price, document and defend related‑party transactions. For businesses operating in Malaysia, transfer pricing has become a core tax risk area rather than a routine compliance exercise.